Stuart Peltz
Analyst · Wedbush Securities. Your line is open
Good afternoon. Thank you for joining us on the call. We’re happy to report on the progress we’ve made in the second quarter across our regulatory, commercial and clinical front. Important second quarter updates include recent discussions with the regulatory authorities in both the United States and Europe, continued progress on our Translarna commercialization efforts, development in our clinical pipeline and financial results for the quarter. Let me start with the EMA’s review of our current marketing authorization of Translarna for Duchenne muscular dystrophy. As you know, in 2014, Translarna was the first drug ever to receive an approval to treat the underlying cause of Duchenne muscular dystrophy. Translarna was approved in the Europe economic area for the treatment of nonsense mutation Duchenne muscular dystrophy in ambulatory patients five years and older. Translarna is currently available to patients in over 20 countries for commercial sales or early access programs in Europe and other countries around the globe. As a condition of our approval, we submitted the results of our ACT DMD phase 3 clinical trials to the European Medicines Agency. In parallel, we also submitted the request for annual review of our marketing authorization as you may recall we outlined three possible outcomes; recommendations for conversion to full approval, maintenance of the conditional approval or removal from the market. We believe that either of the first two outcomes would be positive for Duchenne muscular dystrophy patients and for PTC. Over the last few months, we've had constructive dialog with the European Medicine Agency including participating in a scientific advisory group meeting and an oral explanation association meeting. While ACT DMD did not meet its primary endpoint, the results of our analysis in context of an existing conditional approval and higher medical need suggest the benefit risk profile for Translarna remains positive. In CHMP’s view however additional efficacy data from a new clinical trial is needed. As our discussions with the CHMP are ongoing we are working with the EMA to agree on the study design to generate further data. We are optimistic that the marketing authorization for Translarna will be renewed with a specific obligation to conduct the agreed-upon clinical trials. While we originally expected a decision from the EMA by mid-2016, we now expect the CHMP may complete its assessment by the end of the year. Until we have finalized the protocol with the EMA, we are unable to disclose any additional details about the proposed trial design. We plan to share more information once the CHMP review is completed. We appreciate all the efforts put forth by the CHMP and their dedication and commitment to the Duchenne muscular dystrophy patients in this renewal procedure. We are committed to continue our pioneering journey in the Duchenne muscular dystrophy field. Over the last two years we have built a strong international business on the basis of approval under a conditional marketing authorization. This is one of the pathways under European regulatory system to allow for commercialization of drugs with high unmet medical needs. We are confident in our ability to continue to grow this business under that framework. I like now to turn to our regulatory activities in the United States. As you know, we received a refusal to file letter in February from the FDA. We recently filed an appeal with the goal of overturning the decision and enabling Translarna's submission to be probably reviewed. We couldn't disagree more strongly or be more frustrated with the FDA's refusal to file letter concerning Translarna. We believe that Translarna not only meets the FDA standard with respecting to filing, but also includes adequate information include that Translarna does not have the potential for abuse. We believe that Translarna provides a clinically meaningful benefit and has been helping United States boys and young men with the Duchenne muscular dystrophy for years through our extension trial. There are three critical points I'd like to make about our appeal. One, the evidence of effectiveness; two, fair and consistent treatment of Duchenne muscular dystrophy application; and three, the importance of a full review of our clinical results. Now let me address each of these points in more detail. The first point, we believe our NDA provides substantial evidence of effectiveness with results from over a decade of clinical studies including two of the largest placebo-controlled studies ever conducted in the Duchenne muscular dystrophy in over 400 patients. We believe we have the strongest data to-date for a treatment to address the underlying cause of the Duchenne muscular dystrophy demonstrating benefits across primary and secondary endpoints in a one-year study. For a rare disease indication there is a significant amount of phase 3 data supporting Translarna’s safety profile which is a critical advantage for chronic therapy. In addition, new analysis from our ongoing extension trial continued to demonstrate Translarna has long-term benefit for patients. We enrolled both to 100% percent of patients in our ACT DMD extension trial and our preliminary analysis to reinforce our confidence in the benefits of Translarna. In addition, a new analysis of study 007 extension data is supportive of Translarna's ability to preserve lung function in non-ambulatory patients. The need for ventilation due to compromised lung function has been shown to be an important milestone in the progression of this disease. We look forward to presenting this data at medical meetings in the near future. Point two, we believe that the Refuse of File letter we received from the FDA was not consistent with their actions with respect to other companies who submitted the NDAs for the treatment of the Duchenne muscular dystrophy. The FDA accepted those files for full review, indeed the FDA has previously approved drugs that did not meet their primary endpoints. Applicant in front of regulatory agencies have a right to expect equal treatment. And point 3, our results can only be fairly assessed with the attention they deserved in the context of a full and fair review with an advisory committee including clinical experts in the Duchenne muscular dystrophy and representative of the patient community. It is clear that the Duchenne muscular dystrophy has been a challenging disease of study giving the emerging natural history data and understanding the [indiscernible] clinical endpoint. It is difficult to believe the FDA can make a proper assessment in the absence of a comprehensive review. We feel strongly that it is in the best interest of the Duchenne muscular dystrophy patients in the United States that Translarna is reviewed by the agency. We submitted our appeal via formal dispute resolution process that exists within FDA's Center for Drug Evaluation and Research. This process is designed to encourage open prompt discussion of scientific procedural dispute that arise during a FDA review by escalating continuing discussions for the next level of management. We remain focused on working with the FDA to bring Translarna to patients in the United States and we believe that this process is the appropriate next steps. As part of the appeal process, we are willing to consider multiple paths through advance of potential FDA approval including conducting an additional clinical trial as a post marketing commitment in conjunction with the accelerated approval. We anticipate additional visibility on the path forward in the United States in the coming months. Let's switch gears to discuss our commercialization effort for Translarna. Our global launch of Translarna is tracking well and the feedback we received from physicians and patients remain very positive. We have seen good growth across Europe, Latin America and the Middle East with sales in the first half of 2016 exceeding total sales for all of 2015. Let me handle the call over to Chief Commercial Officer Mark Rothera for further detail on our commercial efforts.